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Common Compliance Pitfalls and Strategies for Success

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Title: Common Compliance Pitfalls and Strategies for Success


1
Common Compliance Pitfalls and Strategies for
Success
  • Diane Dean, Director
  • Jeannette Gordon, Assistant Grants Compliance
    Officer
  • Kathy Hancock, Assistant Grants Compliance
    Officer
  • Division of Grants Compliance and Oversight
  • Office of Policy for Extramural Research
    Administration, OERNational Institutes of
    Health, DHHS
  • Chicago, Illinois NIH Regional Seminar June 2008

2
Division of Grants Compliance and Oversight
Joe Ellis Director, OPERA
Diane Dean Director, Division of Grants
Compliance and Oversight
John Burke, Mary Fran Deutsch, Jeannette Gordon,
and Kathy Hancock Assistant Grants Compliance
Officers
  • This Division was established on August 28,
    2001 and is responsible for managing internal and
    external compliance activities, both proactive
    and for-cause.

3
Compliance is
  • The effective management of public funds to
    maximize research outcomes
  • The avoidance of fraud, institutional
    mismanagement, and poor management of Federal
    funds

4
What are grantees responsible for..
  • Safeguarding all assets
  • Spending funds in accordance with the authorized
    purpose
  • Developing and implementing systems to ensure
    proper stewardship of funds
  • Financial management systems
  • Procurement systems
  • Time effort reporting systems
  • Monitoring activities
  • Adherence to terms conditions of award

5
Grantee Compliance Requirements
  • Institutional Policies
  • Organizational Structure
  • Purchasing
  • Accounting/Budgetary Controls
  • Time and Effort Reporting
  • Travel
  • Consulting
  • Property Management
  • Ethics/Conflict of Interest

6
Federal Compliance Requirements
  • Code of Federal Regulations (CFR)
  • 42 CFR Part 52 Grants for Research Projects
  • http//www.access.gpo.gov/nara/cfr/waisidx_03/42c
    fr52_03.html
  • 45 CFR Parts 74 and 92 Public Welfare,
    Administrative Requirements
  • (74) http//www.access.gpo.gov/nara/cfr/waisidx_0
    4/45cfr74_04.html
  • (92) http//www.access.gpo.gov/nara/cfr/waisidx_04
    /45cfr92_04.html
  • 45 CFR Part 46 Public Welfare, Protection of
    Human Subjects
  • http//www.access.gpo.gov/nara/cfr/waisidx_04/45c
    fr46_04.html

7
Federal Compliance Requirements
  • OMB Circulars - http//www.whitehouse.gov.ombcircu
    lars/
  • Administrative Requirements or Standards
  • A-102 Uniform Administrative Requirements for
    Grants and Cooperative Agreements awarded to
    State and Local Governments and Indian Tribes
  • A-110 / 2 CFR Part 215 formerly at 45 CFR Part
    74
  • Uniform Administrative Requirements for Grants
    and Agreements awarded to Universities,
    Hospitals, and Other Non-Profit Organizations
  • These include pre-award and post-award
    requirements

8
Federal Compliance Requirements
  • Cost Principles Applicable OMB Circulars and
    CFRs
  • A-21 (2 CFR Part 220) Cost Principles for
    Educational Institutions
  • A-87 (2 CFR Part 225) Cost Principles for State
    and Local Governments and Indian Tribes
  • A-122 (2 CFR Part 230) Cost Principles for
    Non-Profit Organizations
  • 45 CFR Part 74, Appendix E Principles for
    Determining Costs Applicable to Hospitals
  • 48 CFR Subpart 31.2 (Federal Acquisition
    Regulation) Applicable to For-profit
    organizations

9
Federal Compliance Requirements
  • Audit Requirements Applicable OMB Circular and
    CFR
  • A-133 Audits of States, Local Governments, and
    Non-Profit Organizations
  • 45 CFR Part 74.26 Audits of For-Profit and
  • Foreign Organizations

10
Summary of Applicable Regulations Summary of Applicable Regulations Summary of Applicable Regulations Summary of Applicable Regulations
Grantee Type Admin Requirements Cost Principles Audit Requirements
State Local Governments A-102 (45 CFR Part 92) A-87 (2 CFR Part 225) A-133 ______________ 45 CFR Part 74.26(d)
Colleges Universities A-110 2 CFR Part 215 (formerly at 45 CFR Part 74 or Part 92) A-21 (2 CFR Part 200) A-133 ______________ 45 CFR Part 74.26(d)
Non-Profits A-110 2 CFR Part 215 (formerly at 45 CFR Part 74 or Part 92) A-122 (2 CFR Part 230) A-133 ______________ 45 CFR Part 74.26(d)
Hospitals A-110 2 CFR Part 215 (formerly at 45 CFR Part 74 or Part 92) 45 CFR Part 74, App E A-133 ______________ 45 CFR Part 74.26(d)
For-Profits A-110 2 CFR Part 215 (formerly at 45 CFR Part 74 or Part 92) FAR 31.2 (48 CFR) A-133 ______________ 45 CFR Part 74.26(d)
Foreign A-110 2 CFR Part 215 (formerly at 45 CFR Part 74 or Part 92) As stated above for your grantee type NIH GPS uses 45 CFR Part 74.26(d)
11
Federal Compliance Requirements
  • NIH Grants Policy Statement
  • http//odoerdb2.od.nih.gov/gmac/nihgps_2003/index
    .htm
  • Notice of Award (NoA) Letter
  • NIH Guide to Grants and Contracts (for new
    requirements)
  • http//grants.nih.gov/grants/guide/index.html

12
Compliance Pitfalls
  • Unallowable costs
  • Misallocation of costs
  • Excessive cost transfers
  • Inaccurate effort reporting
  • Incomplete other support
  • Inadequate subrecipient monitoring
  • Administrative Clerical costs
  • Noncompliance with Assurances and special terms
    and conditions of award
  • Delinquent closeout reporting

13
Case Studies with References
14
Case Study 1
  • A University employee transfers funds from one
    account to another and annotates the cost
    transfer to correct an accounting error.
  • Internal Audit takes exception. Why?

15
References for Case Study 1
  • If it was an accounting error, the transfer must
    be supported by documentation that fully explains
    how the error occurred and a certification of the
    correctness of the new charge by a responsible
    organization official.
  • Transfers of costs from one project to another or
    from one competitive segment to the next solely
    to cover cost overruns are not allowable.
  • All charges to grants must be reasonable,
    allowable, allocable, and consistent.

16
Case Study 2
  • Dr. Micron has a U01 in the -03 year with some
    unexpected equipment needs. Dr. Micron notices a
    large amount of unobligated funds from the -02
    year.
  • Can these funds be used to purchase the
    equipment?

17
References for Case Study 2
  • Review the Notice of Award (NoA) Letter for
    specified carryover authority.
  • P50, P60, P30, Us, Ts, non-Fast Track R43s and
    R41s, clinical trials (regardless of mechanism),
    and awards to individuals are routinely excluded
    from the automatic carryover of unobligated
    balances. Carryover of unobligated balances for
    these awards normally requires prior approval
    from the NIH awarding office unless that
    requirement is waived by a term or condition of
    the NoA.
  • Specific awards may be excluded from use of
    carryover through a special term or condition in
    the NoA.
  • Cost principles purchases paid for with grant
    funds must be allocable to that award.

18
Case Study 2 (Part 2!)
  • Moving forward a few years, Dr. Microns grant
    is now in its final year and is not being
    renewed. There is an unobligated balance of
    100,000. Dr. Micron decides to request a
    no-cost extension to complete the research.
  • Is this appropriate?

19
References for Case Study 2(Part 2!)
  • The grantee may extend the final budget period of
    the
  • previously approved project period one time for a
    period
  • of up to 12 months beyond the original expiration
    date
  • shown in the NoA if
  • no additional funds are required,
  • the projects originally approved scope will not
    change, and
  • any one of the following applies
  • Additional time beyond the established expiration
    date is required to ensure adequate completion of
    the originally approved project.
  • Continuity of NIH grant support is required while
    a competing continuation application is under
    review.
  • The extension is necessary to permit an orderly
    phase-out of a project that will not receive
    continued support.

20
More References for Case Study 2(Part 2!)
  • Remember that
  • The fact that funds remain at the expiration of
    the grant is not, in itself, sufficient
    justification for an extension without additional
    funds.
  • Grantees registered in the eRA Commons can extend
    their grant up to the day before it expires, but
    only if all requirements are met.
  • If the grantee is not registered in the eRA
    Commons, the NIH awarding office must be notified
    in writing of the extension 10 days before the
    expiration date of the project period.
  • NOTE Any additional extension beyond the
    one-time extension of up to 12 months requires
    NIH prior approval.

21
Case Study 3
  • You heard that an employee who works at the
    University of Woe (UW) was charged with
    submitting false invoices. This concerns you
    because this person is an investigator on a
    subcontract that supports the research of a PI in
    your lab.
  • Your inclination is to stay out of it, its none
    of your business. What should you do?

22
References for Case Study 3
  • As a grantee, your institution is legally
    responsible and accountable to the NIH for the
    appropriate use of funds provided and for the
    performance of the grant-supported project or
    activity. This includes the grant-supported
    activities of consortium (subcontract)
    participants.

23
How to Report Concerns Related to NIH Grants -
Case Study 3
  • Consider contacting
  • Your institution (e.g., Office of Sponsored
    Research)
  • The NIH grants management office that funded the
    grant
  • http//grants.nih.gov/grants/stafflist_gmos.htm
  • The Division of Grants Compliance and Oversight,
    OPERA, OER
  • GrantsCompliance_at_nih.gov
  • Or make a formal allegation by contacting the
  • NIH Office of Management Assessment at (301)
    496-5586
  • DHHS Office of Inspector General at
    HTips_at_os.dhhs.gov

24
Case Study 4
  • You are asked by a PI to stop at an office
    supply store on your way to work and pick up a
    few items. The PI also asked you to get some
    donuts for a lab meeting that morning. When you
    arrive at work, the PI tells you that all of the
    items should be charged to the grant.
  • Your Departmental Administrator tells you that
    these purchases must come from Departmental
    funds. Why?

25
References for Case Study 4
  • If the supplies are not specifically allocable to
    the grant, they are considered general office
    supplies and should not be charged as a direct
    cost to the grant account.
  • Entertainment costs, such as food, are
    unallowable.

26
More References for Case Study 4
  • Meals are allowable when (1) they are provided by
    a conference grant (for scientific meetings
    supported by the conference grant) (2) they are
    provided to subjects or patients under study
    provided that such charges are not duplicated in
    participants per diem or subsistence allowances,
    if any and (3) such costs are specifically
    approved as part of the project activity in the
    NoA.

27
More References for Case Study 4
  • With the May 10, 2004 revision of A-21, meals may
    be an allowable cost if they are provided in
    conjunction with a meeting when the primary
    purpose is to disseminate technical information.
  • An institution must also have a written and
    enforced policy in place that addresses the
    following
  • Ensures consistent charging of meal costs
  • Defines what constitutes a meeting for the
    dissemination of technical information
  • Specifies when meals are allowable for such
    meetings
  • Establishes limitations and other controls on
    this cost

28
More References for Case Study 4
  • REMEMBER
  • Recurring business meetings, such as staff
    meetings, are generally not considered meetings
    to disseminate technical information.

29
Case Study 5
  • Dr. Award, the PI, is asked to provide other
    support in response to a Just-In-Time request
    (application is being considered for funding).
  • Dr. Award has several NIH grants (including a
    training grant), funding from a pharmaceutical
    company, and institutional gift funds.
  • What should Dr. Award include as other support?

30
References for Case Study 5
  • Other support includes all financial resources,
    whether Federal, non-Federal, commercial or
    organizational, available in direct support of an
    individuals research endeavors, including, but
    not limited to, research grants, cooperative
    agreements, contracts, or organizational awards.
    Other support does not include training awards,
    prizes, or gifts.

31
Case Study 5How to Report Other Support
  • No Form page (sample page provided)
  • Include information on active pending support
    for Senior/key personnel (excludes consultants
    and Other Significant Contributors)
  • Provide the level of actual effort in person
    months (even if unsalaried) for the current
    budget period. Person months should be
    classified as academic, calendar and/or summer.
    For pending projects, indicate the effort in
    person months as proposed. If appointment is
    divided into academic and summer, indicate the
    proportion of each devoted to the project.
  • For additional information see Frequently Asked
    Questions http//grants.nih.gov/grants/policy/per
    son_months_faqs.htm

32
Case Study 6
  • You recently learned that a PI did not disclose
    on his proposal sign-off form that he was
    debarred for defaulting on his college loan.
    Unfortunately, you determined that this situation
    has gone unreported for a period of three years
    and during that time the PIs salary has been
    paid by NIH grant funds.
  • Now what?

33
References for Case Study 6
  • Immediately report the situation to your Office
    of Sponsored Research and to each NIH awarding
    component.
  • Individuals debarred from eligibility cannot be
    paid from NIH grant funds and such charges are
    unallowable.

34
Additional Information Related to Case Study 6
  • Q What is the Excluded Parties Lists System
    (EPLS)?
  • A EPLS is the electronic version of the Lists of
    Parties Excluded from Federal Procurement and
    Nonprocurement Programs (Lists), which identifies
    those parties excluded throughout the U.S.
    Government (unless otherwise noted) from
    receiving Federal contracts or certain
    subcontracts and from certain types of Federal
    financial and nonfinancial assistance and
    benefits.
  • http//epls.gov/
  • Frequently asked questions
  • http//www.epls.gov/epls/jsp/FAQ.jsp

35
Case Study 7
  • You were recently informed that a foreign
    sub-recipient had not completed its annual audit.
    You contact the foreign university and are
    assured that they are in compliance with their
    countrys regulations and they do not have to
    comply with U.S. requirements.
  • Is this correct?

36
References for Case Study 7
  • Foreign recipients of NIH grant funds are subject
    to the same audit requirements as for-profit
    organizations. These requirements are specified
    in 45 CFR 74.26(d) and in the NIH Grants Policy
    Statement "Grants to For-Profit Organizations."
    In summary, these requirements apply if, during
    its fiscal year, the organization expends a total
    of 500,000 or more under one or more HHS awards
    and at least one award is an HHS grant.
  • Audit options include
  • A financial-related audit (as defined in, and in
    accordance with, the Government Auditing
    Standards (commonly known as the "Yellow Book"),
    of all the HHS awards or
  • An audit that meets the requirements of OMB
    Circular
  • A-133.

37
Case Study 8
  • A project leader on an NIH-funded
    multi-project grant (e.g., P01) receives a new
    NIH award on which he is PI. As a result, he
    needs to reduce his effort on the existing grant
    from the initial approved level of 6 person
    months (50) to 4.8 person months (40).
  • 1. Does the grantee institution need to obtain
    NIH prior approval for this change?
  • 2. What if the PI has similar circumstances and
    wants to reduce her effort? Is NIH prior
    approval required?

38
References for Case Study 8
  • Grantees are required to notify the NIH Grants
    Management Officer in writing if the PI or
    Senior/key personnel specifically named in the
    NoA will withdraw from the project entirely, be
    absent from the project during any continuous
    period of 3 months or more, or reduce time
    devoted to the project by 25 percent or more from
    the level that was approved at the time of award.
  • NIH must approve any alternate arrangement
    proposed by the grantee, including any
    replacement of the PI or key personnel named in
    the NoA.

39
References for Case Study 8 contd
  • The requirement to obtain NIH prior approval for
    a change in status pertains only to the PI and
    those key personnel NIH named in the NoA
    regardless of whether the applicant organization
    designates others as key personnel for its own
    purposes.

40
Reduced Effort CalculationsCase Study 8 contd
  • The PIs effort on grant A is 6 person months
    (50) and it needs to be reduced to 4.8 person
    months (40). Does this require NIH prior
    approval?
  • No, because the requested reduction in effort of
    1.2 person months (10) does not meet the 25
    prior approval threshold
  • (.25 x 6 1.5 person months) or
  • (.25 x 50 12.5)

41
Reduced Effort CalculationsCase Study 8 contd
  • The PIs effort on grant A is 3 person months
    (25) and it needs to be reduced to 1.2 person
    months (10) . Does this require NIH prior
    approval?
  • Yes, because the requested reduction in effort of
    1.8 person months (15) meets the 25 prior
    approval threshold
  • (.25 x 3 .75 person months) or (.25 x 25
    6.25)
  • Person/Months FAQ calculator
    http//grants.nih.gov/grants/policy/person_months_
    faqs.htm

42
Case Study 9
  • Dr. Miller purchases a much needed piece of
    specialized equipment for her research on
    hypertension. When preparing the purchase
    request, she realizes that the only account with
    enough money is her grant for research on sleep
    disorders. Because both grants are funded by
    NIH, she charges the equipment to the sleep
    disorder grant.
  • Is this appropriate?

43
References for Case Study 9
  • The cost principles address four tests to
    determine allowability of costs
  • Allocability
  • A cost is allocable to a specific grant, if it
    is incurred solely in order to advance work under
    the grant and is deemed assignable, at least in
    part, to the grant.
  • Reasonableness
  • A cost may be considered reasonable if the
    nature of the goods or services acquired reflect
    the action that a prudent person would have taken
    under the circumstances prevailing at the time
    the decision to incur the cost was made.

44
References for Case Study 9 contd
  • Consistency
  • Grantees must be consistent in assigning costs.
    Although costs may be charged as either direct
    costs or FA costs, depending on their
    identifiable benefit to a particular project or
    program, they must be treated consistently for
    all work of the organization under similar
    circumstances, regardless of the source of
    funding, so as to avoid duplicate charges.
  • Conformance
  • Conformance with limitations and exclusions as
    contained in the terms and conditions of
    awardvaries by type of activity, type of
    recipient, and other variables of individual
    awards.

45
Case Study 10
  • Dr. Admins from the University of Education
    submits a research grant application that seeks
    support for a half-time secretary, two laptops
    and a blackberry.
  • Are these types of costs appropriate for a
    traditional R01 grant application?

46
References for Case Study 10
  • Generally, these cost items are not allowed as
    direct costs on grants for educational
    institutions.
  • A-21 provides examples and guidance where direct
    charging of administrative or clerical staff
    salaries may be appropriate.
  • Check with your institutional policy before
    including these types of costs in grant proposal
    budgets.

47
References for Case Study 10 contd
  • When requested in the budget, NIH considers these
    costs on a case by case basis.
  • NIH considers the justification of general use
    business items (e.g. laptops) to determine if
    they are needed for a special research purpose.
    General office use is not sufficient
    justification.
  • Post award rebudgeting actions must also meet
    institutional and A-21 requirements.

48
Questions?
  • Diane Dean
  • dd12a_at_nih.gov
  • 301-435-0949
  • Jeannette Gordon
  • jg82s_at_nih.gov
  • 301-451-4224
  • Kathy Hancock
  • kh47d_at_nih.gov
  • 301-435-1962
  • GrantsCompliance_at_nih.gov
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